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HABEAS

Berghuis v. Thompkins

Issues

Whether a state court’s determination that a defendant’s Fifth and Sixth Amendment rights were not violated — where he was interrogated for three hours while silent before making an incriminating statement and where his lawyer failed to request a limiting instruction — is entitled to deference under 28 U.S.C. § 2254.

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In February of 2001, Southfield, Michigan police officers questioned Van Chester Thompkins (“Thompkins”) for roughly three hours about a shooting that had occurred over one year prior. Although Thompkins remained silent for much of the interrogation, he ultimately provided police with incriminating statements. In 2002, Thompkins was convicted of first-degree murder. In a habeas corpus proceeding pursuant to 28 U.S.C. § 2254, the Sixth Circuit reversed the conviction, finding that Thompkins had not waived his Miranda rights and that he had been unfairly prejudiced by ineffective counsel. The Supreme Court will decide whether the Sixth Circuit (1) erroneously expanded the Miranda rule so as to prevent officers from persuading defendants to cooperate who neither invoked nor waived their Miranda rights and (2) violated 28 U.S.C. § 2254(d) by failing to afford the state appellate court deference with respect to the ineffective assistance of counsel claim. The decisions will likely impact the manner in which the police approach and question suspects who have neither explicitly invoked nor waived their Miranda rights.

 

Questions as Framed for the Court by the Parties

I. Whether the U.S. Court of Appeals for the Sixth Circuit expanded the Miranda rule to prevent an officer from attempting to non-coercively persuade a defendant to cooperate where the officer informed the defendant of his rights, the defendant acknowledged that he understood them, and the defendant did not invoke them but did not waive them.

II. Whether the Sixth Circuit failed to afford the State court the deference it was entitled to under 28 U.S.C. § 2254(d), when it granted habeas relief with respect to an ineffective assistance of counsel claim where the substantial evidence of Thompkins' guilt allowed the State court to reasonably reject the claim.

On January 10, 2000, Samuel Morris and Frederick France were repeatedly shot while driving through a strip mall parking lot in Southfield Michigan. See Thompkins v. Berghuis, 547 F.3d 572, 575 (6th Cir.

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